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Witness Preparation Young Lawyers

U.S. Legal Support

Bench Trial vs. Jury Trial: Preparing for Each

U.S. Legal Support on

When a case proceeds to trial, a legal team may face a critical decision about whether to have it adjudicated by a jury of peers or a single judge. Both options can offer benefits depending on the merits and subject matter...more

U.S. Legal Support

Discover the Benefits of Mock Trials

U.S. Legal Support on

Case preparation can take months of research, depositions, and strategic planning—all for that one high-pressure moment in court. Even learning how to write a good opening statement can take a considerable amount of time and...more

Jaburg Wilk

For My Fellow Younger Attorneys Facing a Multitude of Depositions: A Deposition Blueprint and Roadmap – Part II: Taking...

Jaburg Wilk on

This article is the second, and final, part of a two-part series that is meant to provide some guidance, suggestions, and insights for younger attorneys that have little or no deposition experience that are tasked with...more

Esquire Deposition Solutions, LLC

Common Mistakes in 30(b)(6) Witness Preparation

Under Federal Rule of Civil Procedure Rule 30(b)(6), a party may depose a public or private corporation, a partnership, an association, a governmental agency, or another entity. Of course, it is not actually possible to...more

NAM (National Arbitration and Mediation)

3 Key Components For A Successful Trial Or Arbitration: Preparation, Anticipation, Execution

During my thirty plus years of practice, I have come across many articles and lectures opining on what it takes to plan successfully for trial or arbitration. Many experts analogize trial or arbitration preparation to the...more

NAM (National Arbitration and Mediation)

Preparing Your Witness And Yourself For A Trial Or Arbitration

During my fifteen years as a Judge, I have heard the testimony of hundreds of witnesses in all types of proceedings. As a trial attorney in private practice, I prepared a great number of witnesses to testify. Even with the...more

Holland & Hart - Your Trial Message

The Plaintiff Is a Reptile, so Turn Your Witness into a Mongoose

Let’s consider the life cycle of the Reptile — not the slithering, cold-blooded animal, but the strategic approach to arguing plaintiffs’ cases advocated by David Ball and Don Keenan. That perspective, trying to win by...more

Holland & Hart - Your Trial Message

Witness Preparation: Teach the Second Level of Response

In the game of chess, the difference between a novice player and an experienced player can be boiled down to two words: thinking ahead. The experienced player doesn’t just move their piece’s toward the opposing king. The...more

BCLP

The A++ Forms and Resources–Defending Depositions, Prepping Your Witness, Practical Tips and Key Errors to Avoid

BCLP on

Editor’s Note: Ok, we know, this is waaaay to long for a blog post. But this is just too good not to share! In our continuing effort to avoid re-inventing the wheel, getting the easy stuff down to checklists, and helping...more

Jaburg Wilk

Expert Witnesses: Who Needs ’Em?

Jaburg Wilk on

Clients often ask whether retaining an expert witness is necessary in their case. And they are wise to ask, because experts are a critical part of many cases, but not all. As attorneys, we often retain an expert “because we...more

Arnall Golden Gregory LLP

Be Thoughtful In Your Rule 30(b)(6) Deposition Preparation to Avoid The Threat of Sanctions

Failing to adequately prepare a corporate witness for his or her 30(b)(6) deposition can have serious consequences. In fact, courts treat an unprepared 30(b)(6) witness as a witness who simply never bothered to show up for...more

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